The aim of this Report is to assist supervisors evaluate the quality and adequacy of IFRS 9 Expected Credit Loss (ECL) models, in order to contribute to a high-quality and consistent application of the IFRS 9 standard in the EU
- Divergence in some accounting practices is due to the inherent
flexibility embedded in the IFRS 9 standard and the limited experience
to date.
- The COVID-19 pandemic pushed IFRS 9 models outside their
boundaries, thereby increasing the use of manual adjustments, or
overlays, with divergent results on the final ECL amount.
- Some practices observed, particularly in the context of
COVID-19, would deserve further scrutiny from supervisors in particular
to ensure a timely assessment of a significant increase in credit risk.
The European Banking Authority (EBA) published today a Report
summarising the findings arising from the monitoring activities on the
International Financial Reporting Standard (IFRS 9) implementation by EU
institutions. The aim of this Report is to assist supervisors evaluate
the quality and adequacy of IFRS 9 Expected Credit Loss (ECL) models, in
order to contribute to a high-quality and consistent application of the
IFRS 9 standard in the EU. In line with the IFRS 9 Roadmap,
the EBA will continue monitoring and promoting consistent application
of IFRS 9, as well as working on the interaction with prudential
requirements.
Main observations
EU institutions have made significant efforts to implement and adapt
their systems to the IFRS 9 requirements since its first application
date. However, the level of judgement embedded in the standard leaves
open the possibility to use a wide variety of practices. While no single
practice turned out to be a strong driver of the ultimate levels of
provisioning, some observed practices would deserve further scrutiny
from supervisors.
This is particularly relevant as regards the approaches implemented
on the Significant Increase in Credit Risk (SICR) assessment, where
there is a very limited use of the notion of collective assessment for
borrowers with common characteristics, which is unexpected in the
context of an environment of high economic uncertainty, such as the
COVID-19 crisis.
With specific reference to ECL parameters and model inputs, the IFRS 9
12 month PD estimates and variability generally increased during the
pandemic, due to the incorporation of forward looking information (FLI)
and their point in time nature. Differences have been observed in the
approaches used for the incorporation of FLI, which might have some
impact on the severity of the assumptions underlying the scenarios used
for the ECL modelling, and which deserve further consideration from
supervisors.
Regarding classification and measurement, a wide array of practices
was observed in the context of the IFRS 9 business model assessment,
where further scrutiny and guidance is deemed necessary. In terms of
recognition and derecognition of financial instruments, some
discrepancies have been observed in the derecognition of financial
assets (like high percentages of recoveries after write offs) and/or
recognition of accrued interest.
Furthermore, the EBA observed that a limited number of institutions
made use of the IFRS 9 amended transitional arrangements introduced by
the ‘quick fix’ of the Capital Requirements Regulation (CRR),
representing a CET1 benefit of 119 bps as of December 2020.
The COVID-19 pandemic resulted in extraordinary circumstances that
pushed IFRS 9 models outside their ordinary working hypothesis, thereby
increasing the use of overlays at the level of IFRS9 risk parameters or
directly at the level of the final ECL amount. Going forward, the use of
overlays across EU institutions should be subject to continued
monitoring in order to understand whether (and to what extent)
institutions will adjust their ECL models to incorporate the effects
currently captured via overlays/manual adjustments, how many of the
overlays will be maintained and for how long....
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